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Legal heirs can be adjudicated for act or omission of deceased taxpayer

Bimal jain
Revenue Department Can't Target Deceased Taxpayer; Orders Nullified, Legal Heirs May Face Proceedings Instead. The Madras High Court ruled that the Revenue Department cannot proceed against a deceased taxpayer and set aside orders issued posthumously in the case of a deceased individual. The court acknowledged that all relevant communications were dated after the taxpayer's death. It allowed the Revenue Department to initiate proceedings against the legal heirs of the deceased taxpayer instead. This decision arose from a writ petition filed by one of the deceased's sons, challenging the validity of orders served to a deceased person. (AI Summary)

The Hon’ble Madras High Court in MUNUSAMY NAGABUSHANAM (DECEASED) VERSUS THE DEPUTY COMMERCIAL TAX OFFICER - 2024 (6) TMI 1093 - MADRAS HIGH COURT set aside the order issued to the deceased person and held that Revenue department is left open to initiate proceedings against the legal heirs of the deceased taxpayer.

Facts:

Mr. Munusamy Nagabushanam died on May 08, 2021. However, the Revenue department served the show cause notice and assessment order after the date of death in the name of deceased.

One son of Late. Munusamy Nagabushanam filed writ petition before the Hon’ble Madras High court contending that impugned orders are not sustainable as the same are against a dead person.

Issue:

Whether Revenue department can initiate proceedings against legal heirs of deceased taxpayer?

Held:

Hon’ble Madras High Court inMUNUSAMY NAGABUSHANAM (DECEASED) VERSUS THE DEPUTY COMMERCIAL TAX OFFICER - 2024 (6) TMI 1093 - MADRAS HIGH COURTheld that:

  • Noted that, all the relevant communications, including the impugned assessment orders issued by the Revenue authorities are of later date than the date of death of the taxpayer.
  • Set aside the impugned orders and stated that it is left open to the Revenue department to initiate proceedings against the legal heirs of the late Mr. Munusamy Nagabushanam.

(Author can be reached at [email protected])

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